Wolters Kluwer Logo Wolters Kluwer Logo
Open search
Search suggestion
Open suggestion box
Search suggestion
log in button See related products
arrow down
Kluwer International Tax Blog
Search filters
Clear all
GENERAL PREFERENCES
Search only titles
Category
Tags
Contributor
Affiliate
Date
From
To
End date must be later than the start date.

Search Results for: Jonathan Schwarz

82 results available

search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Credit for foreign tax: The LOB and domestic relief
May 24, 2021

The relationship between treaties and domestic tax law ought to be straightforward. The pacta servanda sunt principle expressed in articles 26 and 27 of the Vienna Convention on the Law of Treaties…

  • Read more
search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
When is information on foreign income relevant to a tax investigation?
February 09, 2021

HMRC v Embiricos [2020] UKUT 370 (TC) reflects a common issue that arises in connection with tax investigations or audits of internationally mobile individuals. Mr Embiricos  filed his tax returns on…

  • Read more
search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Good Faith and Treaty Interpretation
January 02, 2021

The newly concluded Trade and Cooperation Agreement between the EU and UK has limited provisions concerning taxation, but interesting provisions relevant to interpretation of treaties including good…

  • Read more
search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Allocation issues: Transfer pricing and tax avoidance: just and reasonable solutions?
November 16, 2020

When the UK introduced its diverted profits tax, I was telephoned by a lawyer at the US Treasury. He wanted to know whether the “just and reasonable” apportionment of profits, in certain…

  • Read more
search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
What is the purpose of a transaction?
October 06, 2020

Case law on thepurpose of transactions is starting to develop around the world. Is there a common pattern? Whether a financing structure was a “tax avoidance arrangement”  under  now repealed general…

  • Read more
search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
What’s the score? What is the source of World Cup income?
August 25, 2020

Those with a long memory for cricketing events may remember the 1996 World Cup hosted jointly by India, Pakistan and Sri Lanka. The winner, Sri Lanka, made 398 runs for 5 wickets, in a one-day…

  • Read more
search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Income from immoveable property: Article 6 and royalty streams
July 29, 2020

Following the Supreme Court decision in Fowler v HMRC [2020] UKSC 22, the UK First-tier Tribunal has considered another case where classification of a source of income for tax treaty purposes was in…

  • Read more
search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
The relationship between treaties and domestic anti-abuse provisions
June 22, 2020

In last month’s blog I promised to address the treaty aspects of  Davies and Others v HMRC [2020] UKUT 67 (TCC). The case concerned UK resident individuals who each took out a life insurance policy…

  • Read more
search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
The eye of the needle: Is one of your purposes tax avoidance?
May 26, 2020

We have all become familiar with the expression in the PPT set out in article 7(1) of the MLI and article 29(9) of the 2017 OECD Model  where “obtaining that benefit was one of the principal purposes…

  • Read more
search-result-placeholder.jpg
Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Transfer pricing and the Corona pandemic
April 22, 2020

In my last blog, I looked at the immediate impact of Covid 19 Lockdowns on key elements of double tax treaties – residence, permanent establishment and employment income. Many tax administrations…

  • Read more
21 - 30 of 82 results
  • 1
  • 2
  • 3
  • 4
  • 5
  • ...
  • 9
  • About Kluwer International Tax Blog
  • Contact Us
  • Wolters Kluwer: Tax Law
    Wolters Kluwer: Tax Law
  • Wolters Kluwer on X
    Wolters Kluwer: X
  • KLI YouTube
    YouTube
  • Editorial Policy & Guidelines
  • Privacy Policy and Use of Cookies
  • User Agreement and Disclaimer

©2025 Kluwer Law International, part of Wolters Kluwer. All rights reserved